Free Status Report - District Court of Connecticut - Connecticut


File Size: 65.8 kB
Pages: 3
Date: February 4, 2004
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 542 Words, 3,043 Characters
Page Size: 612.72 x 1008 pts
URL

https://www.findforms.com/pdf_files/ctd/22550/42.pdf

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ase 3:03-cv-00433\CFD Document 42 Filed 02/0432004 Page 1 of 3
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UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF CONNECTICUT ji; jg fam
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TEVEN B. LEVINE, : CIVIL ACTION NOW _I‘
: 3:03CV0433 (GLG) `
Plaintiff, :
ANDOLPH W. LENZ, ET AL, FEBRUARY 3, 2004 y
Defendants. J
STATUS REPORT i
The plaintiff in the above-entitled matter, Steven B. Levine, hereby advises the
ourt of the current status of the administrative proceedings that were referenced in the i
otion for Stay (dated September 2, 2003). i
The administrative proceeding involving the State of Connecticut has been i
esolved. The plaintiff herein paid a sum of money to resolve that administrative
roceeding and has finalized that aspect of the case for which the plaintiff seeks
ndemnification through this action and/or damages.
The administrative proceeding involving the FDIC has regrettably, to date, not
een resolved and a new administrative hearing date has been scheduled for i
December 6, 2004. There still continues to be informal communications between the
FDIC and the undersigned about the possibility of settlement.
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I ase 3:03-cv-00483-PFD Document`42 Filed O2/04/2004 Page 2 of 3 I
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in light of the aforesaid, at present, the plaintiff recommends that the instant case I
e stayed until June 30, 2004 at which time an updated status report would be provided
o the Court. Ostensibly, the stay is for the same reasons as previously cited, that
ursing litigation in the instant matter is very expensive and at the present time the I
ature and extent of the losses that the plaintiff will suffer are unknown. There remains I
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t least a possibility that plaintiff’s claims will be settled and thus fix the damages I
ubject to continued legal fees which hopefully will provide an incentive to resolve this
laim without the need for litigation.
Accordingly, for the reasons aforesaid, the plaintiff respectfully requests a stay in I
he instant action until June 30, 2004.
PLAINTIFF,
......,.... /
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. . · Richard P. Weinstein, Esquire of
WEINSTEIN 8. WISSER, P.C. I
29 South Main Street, Suite 207 I
West Hartford, CT 06107 I
Telephone No. (860) 561-2628 i
Facsimile No. (860) 521-6150 I
Federal Bar No. ct06215 l

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I N ase 3:03-ov-OO433>pFD Document 42 Filed O2/Q4?OO4 Page 3 of 3 N
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CERTIFICATION
This is to certify that on the 3rd day of February, 2004, a copy of the foregoing was
erved upon:
I Denise R. Polivy, Esquire
Baker O'SuIIivan & Bliss, P.C. .
Putnam Park N
100 Great Meadow Road, Suite 100 N
wemarsrae1u,cr 06109-2361 r ....
Eric Lee, Esquire N
Lee & Amtzis, P.L.
5550 Glades Road, Suite 401 N
Boca Raton, FL 33431-7215 I
Glenn E. Coe, Esquire N
Rome I\/lcGuigan Sabanosh, P.C. N
One State Street, 13th Floor
Hartford, cr 06103-3101 N
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I V_,t_ , .,..,,. -r-wiz i _ ‘
N ¤Q\___` '1chard"P. Weinstein
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I WCLIENTS\LE\/INE STEVEN\LENZ\STATUS REPORTIPAB N
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